Santa Barbara County APCD Rule 361 361 - 1 June 20, 2019
RULE 361. BOILERS, STEAM GENERATORS, AND PROCESS HEATERS (Between 2-5 MMBtu/hr)
(Adopted 1/17/2008, revised 6/20/2019)
A. Applicability
This rule shall apply to any boiler, steam generator, or process heater with a rated heat input capacity
greater than 2 million British thermal units per hour and less than 5 million British thermal units per hour.
B. Exemptions
1. The provisions of this rule shall not apply to:
a. Process heaters, kilns, furnaces, and dryers, where the products of combustion come into
direct contact with the material to be heated.
b. Equipment that does not require a permit under the provisions of Rule 202, Exemptions
to Rule 201. Notwithstanding the above, this exemption shall not apply to any AB 617
Industrial Unit.
2. Section D.1 and D.3 requirements shall not apply to any unit while forced to burn non-gaseous
fuel during times of public utility imposed natural gas curtailment. This exemption shall not
exceed 168 cumulative hours of operation per calendar year excluding equipment testing time not
exceeding 24 hours per calendar year.
C. Definitions
See Rule 102, Definitions, for definitions not limited to this rule. For the purposes of this rule, the
following definitions shall apply:
“AB 617 Industrial Unit” means any unit located at a facility that, as of January 1, 2017, was subject to a
market-based compliance mechanism adopted by the state board pursuant to Health and Safety Code
§38562(c).
“Annual Heat Input” means the total heat input of fuels burned by a unit in a calendar year, as determined
from the higher heating value and cumulative annual usage of each fuel.
“Atmospheric Unit” means any unit with a non-sealed combustion chamber in which natural draft is used
to exhaust combustion gases.
“Boiler or Steam Generator” means any combustion equipment fired with liquid and/or gaseous and/or
solid fuel that is used to produce steam or to heat water. Boiler or Steam Generator does not include any
fired or unfired waste heat recovery boiler that is used to recover or augment heat from the exhaust of any
combustion equipment.
“Digester Gas” means gas derived from the decomposition of organic matter in a digester.
“Existing Unit” means any unit installed prior to January 17, 2008 which has not been modified as defined
herein. Any unit that is an AB 617 Industrial Unit, as defined in this rule, is not considered an existing unit.
“Field Gas” means any gaseous fuel extracted from a production well that:
1. is processed and/or used as fuel in equipment located in the same oil and gas production
field as the production well, and
Santa Barbara County APCD Rule 361 361 - 2 June 20, 2019
2. does not meet the California Public Utility Commission quality pipeline standards as
specified in General Order 58-A.
“Landfill Gas” means gas derived from the decomposition of waste in a landfill.
“Modification” or “Modify” means any of the following actions:
1. Replacing a burner or burners on a unit; or
2. Removing a unit from the site of its original installation and installing it at a different
location. A unit that is reinstalled within the same stationary source is not modified.
“Process Heater” means any external combustion equipment fired with liquid and/or gaseous and/or solid
fuel and which transfers heat from combustion gases to water or process streams. Process Heater does not
include any kiln or oven used for drying, baking, curing, cooking, calcinating or vitrifying or any unfired
waste heat recovery heater that is used to recover sensible heat from the exhaust of any combustion
equipment.
“Rated Heat Input Capacity” means the heat input capacity specified on the manufacturer’s nameplate of
the combustion unit, typically reported in million Btu per hour. If the combustion unit has been physically
modified such that its maximum heat input is different than the heat input capacity specified on the
nameplate, the modified maximum heat input shall be considered as the rated heat input. The new
maximum heat input must be certified, in writing, by the manufacturer or installer and engineering
calculations supporting the new maximum heat input rating must be submitted to and approved by the
District. The District may require the modified maximum heat input capacity to be demonstrated by a fuel
meter while operating the unit at maximum capacity.
“Parts Per Million” or “ppm” means parts per million by volume expressed on a dry gas basis.
“Shutdown Period” means the period of time during which a unit is taken from an operational to a
non-operational status by allowing it to cool down from its operating temperature to a cold or ambient
temperature as the fuel supply is turned off.
“Startup Period” means the period of time during which a unit is brought from a shutdown status to its
operating temperature and pressure.
“Unit” means any boiler, steam generator, or process heater.
D. Requirements – Emission Standards
1. For units that are installed prior to January 1, 2020:
a. By January 1, 2020, no owner or operator shall operate any existing unit in excess of the
emission limits set forth in Table 1 below; and
b. No owner or operator shall operate any unit that was installed or modified between
January 17, 2008 and December 31, 2019 in excess of the emission limits set forth in
Table 1 below.
Table 1: Emission Limits for Units Installed Prior to January 1, 2020
Fuel Type NOx Emission Limit
(ppm at 3% O2)
CO Emission Limit
(ppm at 3% O2)
All Fuels 30 400
Santa Barbara County APCD Rule 361 361 - 3 June 20, 2019
2. The provisions of Section D.1 shall not apply to any existing unit that meets the following:
a. The existing unit operates with an annual heat input, from all fuels, at or below 1.8 billion
British thermal units per calendar year as verified by a District-approved, non-resettable,
temperature and pressure corrected, totalizing fuel meter; and
b. The owner or operator implements the District-approved Rule 361 Compliance Plan that
was submitted to the District prior to March 15, 2016; and
c. The owner or operator demonstrates to the Control Officer compliance with the
requirements specified in Sections F, G, I, and J.
3. On or after January 1, 2020, no owner or operator shall install or modify any unit unless the unit
complies with the emission limits set forth in Table 2 below.
Table 2: Emission Limits for Units Installed On or After January 1, 2020
Fuel Type NOx Emission Limit
(ppm at 3% O2)
CO Emission Limit
(ppm at 3% O2)
Natural Gas or Field Gas:
non-atmospheric units 9 400
Natural Gas or Field Gas:
atmospheric units 12 400
Landfill Gas 25 400
Digester Gas 15 400
Liquefied Petroleum Gas 20 400
All other fuels 30 400
4. On or before June 20, 2020, all AB 617 Industrial Units shall operate in compliance with the
emission limits specified in Section D.3.
E. Requirement - Loss of Low-Use Exemption
Any owner or operator of any existing unit that qualified for the Section D.2 low-use exemption where the
unit’s annual heat input in any calendar year exceeds 1.8 billion British thermal units shall comply with the
following:
1. Within 120 days after the end of the calendar year during which the unit exceeded 1.8 billion
British thermal units of annual heat input, submit an Authority to Construct permit application for
installation of control equipment or a replacement unit; and
2. Within 365 days after the end of the calendar year during which the unit exceeded 1.8 billion
British thermal units of annual heat input, demonstrate to the Control Officer and maintain
compliance with Section D.3 for the life of the unit; and
3. Maintain compliance with the remaining requirements of Section D.2 until compliance with
Section D.3 is achieved.
Santa Barbara County APCD Rule 361 361 - 4 June 20, 2019
F. Requirements – Compliance Determination
1. Any owner or operator of any unit fired exclusively on natural gas and any unit subject to the
Section D.2 low-use exemption shall be tuned-up pursuant to the requirements of Section G. The
District may, at its discretion, require any owner or operator of any unit subject to this rule to
perform a source test per the test methods listed in Section H. An owner or operator may choose to
comply with this section by performing District-approved source testing in lieu of tune-ups.
2. Except for units subject to the Section D.2 low-use exemption, any owner or operator of any unit
fired on fuels other than natural gas shall perform District-approved source testing not less than
once every 24 months using the source test methods listed in Section H. After the third required
compliance source test, the District may, at its discretion, allow the owner or operator of the unit
to perform tune-ups in lieu of source testing per the requirements of Section G.
3. All emission determinations shall be made in the as-found operating condition, except no
compliance determination shall be established during unit startup, shutdown, or under breakdown
conditions.
4. Startup or shutdown intervals shall not last longer than is necessary to reach stable temperatures
and conditions. All emission control systems shall be in operation and emissions shall be
minimized, to the extent possible, during startup and shutdown periods.
G. Requirements – Unit Tuning
The owner or operator of any unit subject to the tune-up requirements of this rule shall comply with the
following requirements:
1. Perform tuning at least twice per year, (at intervals from 4 to 8 months apart) in accordance with
the procedures described in the attached District Rule 361 Tune-Up Procedures. Units subject to
the Section D.1 or D.3 emission standards shall follow the procedure requirements to measure
oxides of nitrogen and carbon monoxide levels using a District-approved, calibrated portable
analyzer.
2. If the unit does not operate throughout a continuous six-month period within a calendar year, then
only one tune-up is required for that calendar year.
3. No tune-up is required during a calendar year for any unit that is not operated during that calendar
year. The unit may still be test fired to verify availability of the unit for its intended use, but once
test firing is completed, it shall be shutdown. If test firing exceeds 24 hours per year, then within
thirty (30) days of exceeding the 24 hour per year limit, a tune-up shall be conducted pursuant to
this section.
4. Any owner or operator of any unit found to be in noncompliance with Section D requirements as a
result of the tune-up procedure shall notify the District in writing within 7 days. The notification
shall include a copy of the Rule 361 Tune-Up Report, the actions taken to get the unit into
compliance, and the next steps to achieve compliance. Failure to bring the unit into compliance
with the requirements of Section D.1 and D.3 within 15 days of the initial tune-up attempt shall
constitute a violation of this rule.
H. Requirements - Source Testing
1. The owner or operator of any unit subject to the source testing provisions of this rule shall submit
a Source Test Plan to the District and obtain District written approval prior to the start of any
source test. The Source Test Plan shall be filed with the District at least 30 days before the start of
each source test. The District shall be notified of the date of source testing at least 14 days prior to
testing to arrange a mutually agreeable test date.
Santa Barbara County APCD Rule 361 361 - 5 June 20, 2019
2. Source testing shall be performed by a source test contractor certified by the California Air
Resources Board. District required source testing shall not be performed by an owner or operator
unless approved by the Control Officer.
3. The owner or operator of any unit subject to the source test requirements of this rule shall use the
test methods and procedures listed below:
a. Oxides of Nitrogen: Environmental Protection Agency Method 7E or California Air
Resources Board Method 100.
b. Carbon Monoxide: Environmental Protection Agency Method 10 or California Air
Resources Board Method 100.
c. Stack Gas Oxygen: Environmental Protection Agency Method 3 or 3A or California Air
Resources Board Method 100.
d. Fuel rate: District-approved metering system, calibrated within 60 calendar days of the
test date. Public Utility Company regulated fuel meters relied on by operators for testing
may be allowed an alternative calibration schedule upon approval by the Control Officer.
Results must be corrected for pressure and temperature to standard conditions.
e. All source tests shall consist of a minimum of three 30 minute tests. The average
concentration from the test runs shall be used for determining compliance.
I. Requirements – Recordkeeping
All owners or operators of units subject to this rule shall keep all records listed below onsite for a period of
five years and the records shall be made readily available to the District upon request:
1. Rule 361 Tune-Up Reports and test-firing records.
2. Source test reports.
3. For existing units subject to the Section D.2 low-use exemption:
a. Monthly and annual fuel use logs for each fuel type.
b. Fuel meter calibration records.
4. Records of emergency non-gaseous fuel use per Section B.2. These records shall include the dates,
operating hours, and volumes of non-gaseous fuel used.
J. Requirements – Reporting
1. The records required pursuant to Section I.1, I.3, and I.4 shall be submitted to the District by
March 1st for the prior calendar year.
2. Source test reports, required pursuant to Section I.2, shall be submitted to the District within
45 days of test completion.
K. Compliance Schedule – Existing Units
The owner or operator of any existing unit subject to this rule shall meet the following compliance
schedule:
Santa Barbara County APCD Rule 361 361 - 6 June 20, 2019
1. On or before January 1, 2020, the owner or operator of any existing unit shall:
a. For units subject to the Section D.1 emission standards, demonstrate final compliance
with the emission standards in Section D.1.
b. For units subject to the Section D.2 low-use exemption, conduct the initial tune-up
pursuant to Section G.
L. Compliance Schedule – AB 617 Industrial Units
1. On or before September 20, 2019, the owner or operator of any AB 617 Industrial Unit that does
not meet the emission standards in Section D.3, as listed in the unit’s Permit to Operate, shall
apply for an Authority to Construct permit.
2. On or before June 20, 2020, the owner or operator of any AB 617 Industrial Unit shall operate in
compliance with the emission standards in D.3.
Santa Barbara County APCD Rule 361 A - 1 June 20, 2019
ATTACHMENT
SBCAPCD Rule 361 Tune-Up Procedures1
PROCEDURE A
Equipment Tuning Procedure for Forced Draft-Fired Equipment2
Nothing in this Equipment Tuning Procedure shall be construed to require any act or omission that would result in
unsafe conditions or would be in violation of any regulation or requirement established by Factory Mutual,
Industrial Risk Insurers, National Fire Prevention Association, the California Department of Industrial Relations
(Occupational Safety and Health Division), the Federal Occupational Safety and Health Administration, or other
relevant regulations and requirements.
As used in this procedure, the requirement to measure Oxides of Nitrogen (NOx) is only required if the unit being
tuned is subject to the requirements of Section D.1 or D.3. NOx (as NO2) measurements shall be taken with a
portable analyzer in accordance with the South Coast Air Quality Management District (SCAQMD) Combustion
Gas Periodic Monitoring Protocol (May 1, 2009), or an equivalent method approved by the Control Officer. The
portable analyzer shall be calibrated in accordance with the SCAQMD Combustion Gas Periodic Monitoring
Protocol (May 1, 2009), and calibration records shall be submitted as part of the Rule 361 Tune-Up Report. Steps in
the Tune-Up Procedure below not applicable to specific units may be omitted.
1. Operate the unit at the firing rate most typical of normal operation. If the unit experiences significant load
variations during normal operation, operate it at its average firing rate.
2. At this firing rate, record stack gas temperature, oxygen concentration, and carbon monoxide concentration
and NOx concentration (also record the smoke-spot number3 for liquid fuels only) and the observed flame
condition after unit operation stabilizes at the firing rate selected. Note these readings in the Rule 361
Tune-Up Report as the “Initial As-Found Conditions.” If the excess oxygen in the stack gas is at the lower
end of the range of typical minimum values4, and if the carbon monoxide emissions are low and there is no
smoke, the unit is probably operating at near optimum efficiency at this particular firing rate. However,
complete the remaining portion of this procedure to determine whether still lower oxygen levels are
practical. Note whether the NOx and carbon monoxide values comply with the applicable limits specified in
the unit’s Permit to Operate.
3. Increase combustion air flow to the furnace until stack gas oxygen levels increase by one to two percent
over the level measured in Step 2. As in Step 2, record the stack gas temperature, oxygen concentration,
carbon monoxide concentration, NOx concentration (also record the smoke-spot number for liquid fuels
only), and the observed flame condition for these higher oxygen levels after boiler operation stabilizes.
1 These Rule 361 tune-up procedures differ from SCAQMD Rule 1146.1 and Ventura Rule 74.15.1 since NOx
readings are required to be taken in addition to the CO reading if the unit is subject to a 30 ppm (or lower) NOx
limit, as specified in the rule.
2 This tuning procedure is based on a tune-up procedure developed by KVB, Inc. for the EPA.
3 The smoke-spot number can be determined with ASTM Test Method D2156-09 (2013), “Standard Test Method for
Smoke Density in Flue Gases from Burning Distillate Fuels,” or with the Bacharach method.
4 Typical minimum oxygen levels for boilers at high firing rates are:
a. For natural gas: 0.5% - 3%
b. For liquid fuels: 2% - 4%
Santa Barbara County APCD Rule 361 A - 2 June 20, 2019
4. Decrease combustion air flow until the stack gas oxygen concentration is at the level measured in Step 2.
From this level, gradually reduce the combustion air flow in small increments. After each increment, record
the stack gas temperature, oxygen concentration, carbon monoxide concentration, NOx concentration,
smoke-spot number (for liquid fuels) and the observed flame condition.
5. Continue to reduce combustion air flow stepwise until one of these limits in reached:
a. Unacceptable flame conditions - such as flame impingement on furnace walls or burner parts,
excessive flame carryover, or flame instability.
b. Stack gas carbon monoxide concentrations greater than 400 ppm or NOx concentrations greater
than the applicable limit as specified in the unit’s Permit to Operate.
c. Smoking at the stack.
d. Equipment-related limitations - such as low windbox/furnace pressure differential, built in air-
flow limits, etc.
6. Develop an oxygen/carbon monoxide curve (for gaseous fuels) or oxygen/smoke curve (for liquid fuels)
similar to those shown in Figures 1 and 2 using the excess oxygen and carbon monoxide or smoke-spot
number data obtained at each combustion air flow setting.
7. From the curves prepared in Step 6, find the stack gas oxygen levels where the carbon monoxide emissions
or smoke-spot number equal the following values:
Fuel Measurement Value
Gaseous carbon monoxide emissions 400 parts per million
#1 & #2 oils smoke-spot number number 1
#4 oil smoke-spot number number 2
#5 oil smoke-spot number number 3
Other oils smoke-spot number number 4
The above conditions are referred to as the carbon monoxide or smoke threshold, or as the minimum excess
oxygen level.
Compare this minimum value of excess oxygen to the expected value provided by the combustion unit
manufacturer. If the minimum level found is substantially higher than the value provided by the
combustion unit manufacturer, burner adjustments can probably be made to improve fuel and air mixing,
thereby allowing operation with less air.
8. Add 0.5 to 2.0 percent to the minimum excess oxygen level found in Step 7 and reset burner controls to
operate automatically at this higher stack gas oxygen level. This margin above the minimum oxygen level
accounts for fuel variations, variations in atmospheric conditions, load changes, and nonrepeatability or
play in automatic controls.
9. If the load of the combustion unit varies significantly during normal operation, repeat Steps 1-8 for firing
rates that represent the upper and lower limits of the range of the load. Because control adjustments at one
firing rate may affect conditions at other firing rates, it may not be possible to establish the optimum excess
oxygen level at all firing rates. If this is the case, choose the burner control settings that give best
performance over the range of firing rates. If one firing rate predominates, settings should optimize
conditions at that rate.
10. Verify that the new settings can accommodate the sudden changes that may occur in daily operation
without adverse effects. Do this by increasing and decreasing load rapidly while observing the flame and
stack. If any of the conditions in Step 5 result, reset the combustion controls to provide a slightly higher
level of excess oxygen at the affected firing rates. Next, verify these new settings in a similar fashion. Then
Santa Barbara County APCD Rule 361 A - 3 June 20, 2019
make sure that the final control settings are recorded at steady-state operating conditions for future
reference.
11. Take a final combustion analysis for NOx concentration, carbon monoxide concentration and oxygen
concentration (also record the smoke-spot number for liquid fuels only). Note these readings, as well as the
stack temperature and flame condition, in the Rule 361 Tune-Up Report as the “Final As-Tuned
Conditions.” Confirm that the final settings result in compliance with the regulatory limits. If compliance
with the emission limits specified in the unit’s Permit to Operate is not achievable, take actions and
provide notification to the District pursuant to the requirements of Section G.4.
12. When the above checks and adjustments have been made, prepare a Rule 361 Tune-Up Report. The report
shall include all recorded data and combustion analysis data for the unit; the manufacturer, model number
and serial number of the portable NOx/CO analyzer; the name, title, signature, company name, and contact
information of person performing the tune-up; and date the tune-up was performed. The Rule 361 Tune-Up
Report shall clearly indicate the “Initial As-Found Conditions” and the “Final As-Tuned Conditions” and
shall (if applicable) state whether Section D.1 and D.3 emission standards for NOx and CO were met.
Calibration records shall be submitted as part of the Rule 361 Tune-Up Report.
NOTE
The owner/operator may propose an alternative tuning procedure that meets the same basic requirements of the
procedure outlined above for District review and approval. The District may assess fees to reimburse its costs
associated with the review of the alternative procedure using either Section I.C or Section III.C of Rule 210, Fees.
District approval of the alternative tuning procedure must be obtained prior to its use.
Santa Barbara County APCD Rule 361 A - 4 June 20, 2019
Figure 1
Oxygen/Carbon Monoxide Characteristic Curve
Figure 2 Oxygen/Smoke Characteristic Curve
Santa Barbara County APCD Rule 361 A - 5 June 20, 2019
PROCEDURE B
Equipment Tuning Procedure for Natural Draft-Fired Equipment
Nothing in this Equipment Tuning Procedure shall be construed to require any act or omission that would result in
unsafe conditions or would be in violation of any regulation or requirement established by Factory Mutual,
Industrial Risk Insurers, National Fire Prevention Association, the California Department of Industrial Relations
(Occupational Safety and Health Division), the Federal Occupational Safety and Health Administration, or other
relevant regulations and requirements.
As used in this procedure, the requirement to measure Oxides of Nitrogen (NOx) is only required if the unit being
tuned is subject to the requirements of Section D.1 or D.3 NOx (as NO2) measurements shall be taken with a
portable analyzer in accordance with the South Coast Air Quality Management District Combustion Gas Periodic
Monitoring Protocol (May 1, 2009), or an equivalent method approved by the Control Officer. The portable analyzer
shall be calibrated in accordance with the SCAQMD Combustion Gas Periodic Monitoring Protocol (May 1, 2009),
and calibration records shall be submitted as part of the Rule 361 Tune-Up Report. Steps in the Tune-Up Procedure
below not applicable to specific units may be omitted.
1. PRELIMINARY ANALYSIS
a. Verify that the boiler, steam generator, or process heater (unit) is operating at the lowest pressure
or temperature that will satisfy load demand. This pressure or temperature will be used as a basis
for comparative combustion analysis before and after tune-up.
b. Verify that the unit operates for the minimum number of hours and days necessary to perform the
work required.
c. Verify that the size of air supply openings is in compliance with applicable codes and regulations.
Air supply openings must be fully open when the burner is firing and air flow must be
unrestricted.
d. Verify that the vent is in good condition, properly sized and free from obstruction.
e. Perform an as-found (i.e., prior to any adjustments) combustion analysis for carbon monoxide
concentration, NOx concentration, oxygen concentration and measure the stack temperature and
note the flame condition at both high and low fire, if possible. Note these readings in the Rule 361
Tune-Up Report as the “Initial As-Found Conditions”. Also record the following:
(1) Inlet fuel pressure at burner at high and low firing rates.
(2) Pressure above draft hood or barometric damper at high, medium, and low firing rates.
(3) Steam pressure, water temperature, or process fluid pressure or temperature entering and
leaving the unit.
(4) Inlet fuel use rate if meter is available.
2. CHECKS AND CORRECTIONS
a. Clean all dirty burners or burner orifices. Verify that fuel filters and moisture traps are in place,
clean, and operating properly. Confirm proper location and orientation of burner diffuser spuds,
gas canes, etc. Replace or repair all damaged or missing burner parts.
b. Remove external and internal sediment and scale from heating surfaces.
c. Verify that the necessary water or process fluid treatment is being used to minimize scale and
corrosion. Confirm flushing and/or blowdown schedule.
Santa Barbara County APCD Rule 361 A - 6 June 20, 2019
d. Repair all leaks. In addition to the high-pressure lines, check the blow-off, drain, safety valve,
bypass lines, and, if used, the feed pump.
3. SAFETY CHECKS
a. Test primary and secondary low water level controls.
b. Check operating and limit pressure and temperature controls.
c. Check pilot safety shut off operation.
d. Check safety valve pressure setting and verify that the setting is consistent with unit load
requirements.
e. Check limit safety control and spill switch.
4. ADJUSTMENTS
Perform the following checks and adjustments on a warm unit at high fire:
a. Adjust unit to fire at the maximum inlet fuel use rate: record fuel manifold pressure.
b. Adjust draft and/or fuel pressure to obtain acceptable, clean combustion at high, medium, and low
firing rates. The carbon monoxide value should not exceed 400 parts per million at 3% oxygen.
c. Verify that unit light-offs are smooth and safe. Perform a reduced fuel pressure test at both high
and low firing rates in accordance with the manufacturer’s instructions.
d. Check and adjust the modulation controller. Verify proper, efficient, and clean combustion
through the range of firing rates.
When optimum performance has been achieved, record all data.
5. FINAL TEST
After adjustments, perform a final combustion analysis for carbon monoxide concentration, NOx
concentration, oxygen concentration, and measure the stack temperature and note the flame condition on
the warm unit at high, medium, and low firing rates, if possible. Note these readings in the Rule 361 Tune-
Up Report as the “Final As-Tuned Conditions”. Also record the following:
a. Inlet fuel pressure at burner at high, medium, and low firing rates.
b. Pressure above draft hood or barometric damper at high, medium, and low firing rates.
c. Steam pressure, water temperature, or process fluid pressure or temperature entering and leaving
the unit.
d. Inlet fuel use rate if meter is available.
If the unit is subject the Section D.1 or D.3 limits for NOx and carbon monoxide, confirm that the final
settings result in compliance with the regulatory limits. If compliance with the emission limits specified
in the unit’s Permit to Operate is not achievable, take actions and provide notification to the District
pursuant to the requirements of Section G.4.
Santa Barbara County APCD Rule 361 A - 7 June 20, 2019
6. RULE 361 TUNE-UP REPORT
When the above checks and adjustments have been made, prepare a Rule 361 Tune-Up Report. The report
shall include all recorded data and combustion analysis data for the unit; the manufacturer, model number
and serial number of the portable NOx/CO analyzer; the name, title, signature, company name and contact
information of person performing the tune-up; and date the tune-up was performed. The Rule 361 Tune-Up
Report shall clearly indicate the “Initial As-Found Conditions” and the “Final As-Tuned Conditions” and
shall (if applicable) state whether Section D.1 and D.3 emission standards for NOx and CO were met.
Calibration records shall be submitted as part of the Rule 361 Tune-Up Report.
NOTE
The owner or operator may propose an alternative tuning procedure that meets the same basic requirements of the
procedure outlined above for review and approval by the Control Officer. The District may assess fees to reimburse
its costs associated with the review of the alternative procedure using either Section I.C or Section III.C of Rule 210.
Control Officer approval of the alternative tuning procedure must be obtained in writing prior to its use.